Canadian Sanctions Update: New Tough Laws And Policy Relating To Russia

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Miller Thomson LLP
Contributor
Miller Thomson LLP (“Miller Thomson”) is a national business law firm with approximately 525 lawyers working from 10 offices across Canada. The firm offers a complete range of business law and advocacy services. Miller Thomson works regularly with in-house legal departments and external counsel worldwide to facilitate cross-border and multinational transactions and business needs. Miller Thomson offices are located in Vancouver, Calgary, Edmonton, Regina, Saskatoon, London, Waterloo Region, Toronto, Vaughan and Montréal.
Canada has imposed sanctions related to Russia under the Special Economic Measures Act, the Export and Import Permits Act and the Special Economic Measures (Russia) Regulations (the "Regulations").
Canada International Law
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Canada has imposed sanctions related to Russia under the Special Economic Measures Act,1 the Export and Import Permits Act2 and the Special Economic Measures (Russia) Regulations (the "Regulations").3 The Regulations respond to actions by Russia that have impacted human rights and Ukraine's sovereignty. On February 24, 2022, Canada strengthened the Regulations in harmony with measures taken by other Western countries and regions, and it has issued a new policy.4 A brief summary is noted below.

Policy guidance has been issued in a Notice to Exporters and Brokers - Export and Brokering of items listed on the Export Control List and the Brokering Control List to Russia (the "Notice").5 The Notice states that Canada has stopped issuing new permits for the export and brokering of controlled goods and technology to Russia. Permits and applications for specific end-uses, such as medical supplies and humanitarian needs, may be considered on a case-by-case basis.

Additionally, the Regulations have been amended to list hundreds of new "designated persons" under Parts 1 and 2, and the applicable schedules. Designated persons include individuals (including government officials) and entities. Section 3 of the Regulations set out a "dealings prohibition." It prohibits any person in Canada and any Canadian outside Canada from dealing with property held by or on behalf of a designated person listed in Schedule 1. Subsections 3.1(1) and 3.1(2) sets out "new debt financing prohibitions." They prohibit any person in Canada and any Canadian outside of Canada from providing specified new debt financing to a person listed in Schedule 2 or 3. Subsection 3.2(1) sets out a "new equity prohibition." It prohibits any person in Canada and any Canadian outside of Canada from engaging in specified securities transactions with a person in Schedule 2.

Footnotes

1. S.C. 1992, c. 17.

2. R.S.C., 1985, c. E-19.

3. SOR/2014-58.

4Regulations Amending the Special Economic Measures (Russia) Regulations, SOR/2022-0027 (entered into force on February 24, 2022).

5. Global Affairs, Serial: 1071, dated February 24, 2022.

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Canadian Sanctions Update: New Tough Laws And Policy Relating To Russia

Canada International Law
Contributor
Miller Thomson LLP (“Miller Thomson”) is a national business law firm with approximately 525 lawyers working from 10 offices across Canada. The firm offers a complete range of business law and advocacy services. Miller Thomson works regularly with in-house legal departments and external counsel worldwide to facilitate cross-border and multinational transactions and business needs. Miller Thomson offices are located in Vancouver, Calgary, Edmonton, Regina, Saskatoon, London, Waterloo Region, Toronto, Vaughan and Montréal.
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